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Top 10 Audit & Program Review Findings

Top 10 Audit & Program Review Findings. Renée Gullotto U.S. Department of Education. Top Audit Findings. Repeat finding – failure to take corrective action R2T4 funds made late Return to Title IV (R2T4) calculation errors Student status – inaccurate/untimely reporting

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Top 10 Audit & Program Review Findings

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  1. Top 10 Audit &Program Review Findings Renée Gullotto U.S. Department of Education

  2. Top Audit Findings • Repeat finding – failure to take corrective action • R2T4 funds made late • Return to Title IV (R2T4) calculation errors • Student status – inaccurate/untimely reporting • Verification violations

  3. Top Audit Findings (cont’d) • Qualified auditor’s opinion cited in audit • Pell overpayment/underpayment • Entrance/Exit counseling deficiencies • Student credit balance deficiencies • Student confirmation report filed late/not filed/not retained for five years/inaccurate

  4. Top Program Review Findings • Verification violations • Student credit balance deficiencies • Return to Title IV (R2T4) Calculation Errors • Crime awareness requirements not met • Satisfactory Academic Progress policy not adequately developed/monitored • Lack of administrative capability • Information in student files missing/inconsistent 2 WAY TIE

  5. Top Program Review Findings (cont’d) • Inaccurate recordkeeping • Pell Grant overpayments/underpayments • Account records inadequate/not reconciled • R2T4 funds made late • Entrance/Exit Counseling Deficiencies 2 WAY TIE

  6. Findings on Both Top Ten Lists • R2T4 calculation errors • R2T4 funds made late • Pell Grant overpayment/underpayment • Verification violations • Student credit balance deficiencies • Entrance/Exit counseling deficiencies

  7. Audit Findings

  8. Repeat Finding –Failure To Take Corrective Action • Failure to implement Corrective Action Plan (CAP) • CAP did not remedy the instances of noncompliance • Ineffective CAP used from previous year(s) • Internal controls not sufficient to ensure compliance with FSA guidelines Regulations: 34 C.F.R. § § 668.16 and 668.174(a)

  9. Repeat Finding- Failure to Take Corrective Action Example: Repeat findings for Untimely Return of Funds Solution: Develop and implement a CAP and an implementation schedule; develop R2T4 monitoring report; establish internal controls to ensure accurate and timely returns

  10. Additional Compliance Solutions • Review results of Corrective Action Plan (CAP) - Is it working? - Are changes needed to improve process? • Perform quality assurance checks to ensure new policies & procedures are strictly followed • Accountability – assign staff to monitor the CAP • Ensure all staff are properly trained

  11. Return of Title IV Funds Made Late • School’s policy and procedures not followed • Returns not made within allowable timeframe (45 days) • Inadequate system in place to identify/track official and unofficial withdrawals • No system in place to track number of days remaining to return funds Regulations: 34 C.F.R. §§ 668.22(j) and 668.173(b)

  12. Return To Title IV Funds Made Late Example: Returns not made within the required timeframe (45 days) Solution: Develop and implement procedures to ensure that R2T4 calculations are completed and funds returned to the appropriate Title IV program within the regulatory timeframe of 45 days

  13. Additional Compliance Solutions • Periodically review processes and procedures to ensure compliance • - Tracking/monitoring deadlines • Ensuring timely communication between • offices and/or systems • R2T4 on the Web • FSA Assessments: Schools • - R2T4 module

  14. R2T4 Calculation Errors • Incorrect number of days • Ineligible funds used as aid that ‘could have been disbursed’ • Improper treatment of grant overpayments • Incorrect withdrawal date • Mathematical and/or rounding errors Regulation: 34 C.F.R. §668.22(e)

  15. R2T4 Calculation Errors Example: Incorrect calculation due to using the wrong number of days for the term/payment period Solution: Work with registrar to receive accurate information regarding enrollment periods, including weekends; be sure to exclude all class breaks of five days or more

  16. Additional Compliance Solutions • Pay attention to new regulations; revise procedures as needed • Perform self-assessment by reviewing a random sample of student files • FSA Assessment: Schools - R2T4 module • Use R2T4 Worksheets - Electronic Web Application - (https://faaaccess.ed.gov)/Paper (FSAH)

  17. Student Status –Inaccurate/Untimely Reporting • Failure to provide notification of last date of attendance/changes in student enrollment status • Student information reported untimely • Failure to report accurate enrollment dates and types (G vs. W) Regulation: 34 C.F.R. § 685.309(b)

  18. Student Status- Inaccurate/Untimely Reporting Example: Failure to report change in student enrollment status when student is enrolled less than half time Solution: Train staff on reporting requirements and procedures, including enrollment status codes definitions; develop process to track and monitor enrollment status changes

  19. Additional Compliance Solutions • Maintain accurate enrollment records • Automate enrollment reporting - Batch uploads or individual online updates - Update frequently • Designate responsibility for monitoring the reporting deadlines • Review NSLDS newsletters for updates • Use the correct status codes

  20. Verification Violations • Verification worksheet missing/incomplete • Income tax transcripts missing • Conflicting data not resolved • Untaxed income not verified • Disbursement of entire Title IV award before verification completed Regulations: 34 C.F.R. Subpart E: § § 668.51 ̶ 668.61

  21. Verification Violations Example: Conflicting information reported on the verification worksheet and on the Institutional Student Information Record (ISIR), not resolved Solution: Develop and implement procedures for resolving conflicting data, and submitting ISIR corrections following completion of verification

  22. Additional Compliance Solutions • Develop appropriate verification procedures to ensure timely submission of all required documents • Monitor verification process • Create a verification checklist • Review Federal Student Aid Handbook, Application & Verification Guide, Chapter 4 • Review verification regulations • Published October 29, 2010 • Effective July 1, 2012

  23. Auditor’s Opinion Cited in Audit(Qualified or Adverse) • Anything other than an unqualified opinion • Serious deficiencies/areas of concern in the compliance audit/financial statements • R2T4 violations • Inadequate accounting systems and/or procedures • Lack of internal controls Regulation: 34 C.F.R. § 668.171(d)(1)

  24. Auditor’s Opinion Cited in Audit(Qualified or Adverse) Example: School did not reconcile Title IV program accounts on a monthly basis Solution: Develop and implement procedures to reconcile Title IV program accounts on a monthly basis

  25. Additional Compliance Solutions • Assessment of entire financial aid/fiscal process - Design an institution-wide plan of action • Adequate and qualified staff • Appropriate internal controls • Training - FSA COACH - FSA Assessments - FSA Online and In-Person trainings • Implement appropriate CAP timely and effectively

  26. Pell Grant Overpayment/Underpayment • Incorrect Pell Grant formula • Inaccurate calculations - Proration - Incorrect EFC - Adjustments between terms - Incorrect number of weeks/hours Regulations: 34 C.F.R. §§690.62; 690.63; 690.75; 690.79 & 690.80

  27. Pell GrantOverpayment/Underpayment Example: Student changed enrollment status between terms, from full-time to half-time, resulting in an overpayment Solution:Establish internal controls and procedures to verify enrollment status before disbursing aid; adjust aid accordingly; develop procedures for resolving over/underpayments

  28. Additional Compliance Solutions • Prorate when needed • Use correct enrollment status • Use correct Pell Grant formula/schedule • Assign responsibility for monitoring to ensure Pell Grant disbursements are accurate and timely • Ensure understanding of staff and provide training as needed • Conduct random file reviews

  29. Entrance/Exit Counseling Deficiencies • Entrance counseling not conducted/ documented for first-time borrowers • Exit counseling not conducted/documented for withdrawn students or graduates (official/unofficial) • Exit counseling materials not mailed to students who failed to complete counseling • Untimely exit counseling Regulation: 34 C.F.R. § 685.304

  30. Entrance/Exit Counseling Deficiencies Example: Exit counseling not completed for unofficial or mid-year withdrawals Solution: Develop and implement procedures to ensure accurate tracking of withdrawals so that Exit counseling is completed for all students as needed; post links to entrance/exit counseling on schools web page

  31. Additional Compliance Solutions • Assign responsibility for monitoring the entrance/exit interview process • Develop and implement procedures to ensure entrance/exit counseling is completed; automate tracking, monitoring; post links on school’s web page: www.studentloans.gov for entrance, www.nslds.ed.gov for exit • Develop procedures for ensuring communication among registrar, business, and financial aid offices • Provide staff training • FSA COACH: Module 4-03: Loan Counseling Requirements • FSA Assessments: Schools • Default Prevention & Management

  32. Student Credit Balance Deficiencies • Credit balance not released to student within 14 days • No process in place to determine when a credit balance has been created • Non-compliant authorization to hold Title IV credit balances • Regulations: 34 C.F.R. §§668.164(e) and 668.165(b) 32Audit Findings

  33. Student Credit Balance Deficiencies Example: Credit balances were not paid timely; credit balance authorization incorrect or inadequate Solution: Develop and implement procedures and internal controls so that credit balances can be identified and released timely; correct credit balance authorization; provide training for staff

  34. Additional Compliance Solutions • Establish internal controls to track dates associated with credit balances payment • Conduct a self-audit of credit balance disbursements • Ensure credit balance authorization is compliant with Title IV requirements - See example in FSA Handbook, Volume 4 34 Audit Findings

  35. Student Confirmation Report Filed Late/Inaccurate • Roster file (formerly called Student Status Confirmation Report [SSCR]) not submitted timely to NSLDS • Failure to correct student information on roster file • Failure to correct erroneous information when roster is returned

  36. Student Confirmation Report Filed Late/Inaccurate Example: Failure to submit Roster File timely; no policies and procedures for updating and submitting the Roster Solution: Develop policies and procedures for processing and submitting the Roster File; train staff on reporting requirements and procedures

  37. Additional Compliance Solutions • Review, update, and verify student enrollment statuses, effective dates of enrollment, and completion dates • Designate responsibility for monitoring the reporting deadlines, updating and submitting the Roster File • Monitor the NSLDS reporting website for updates • Establish an electronic enrollment reporting schedule

  38. Program Review Findings

  39. Program Review Findings • Verification violations • Student credit balance deficiencies • Return to Title IV (R2T4) Calculation Errors • Crime awareness requirements not met • Satisfactory Academic Progress policy not adequately developed/monitored • Lack of administrative capability • Information in student files missing/inconsistent 2 WAY TIE

  40. Program Review Findings • Inaccurate recordkeeping • Pell Grant overpayments/underpayments • Account records inadequate/not reconciled • R2T4 funds made late • Entrance/Exit Counseling Deficiencies 2 WAY TIE

  41. Crime Awareness Requirements Not Met • Campus security policies and procedures not adequately developed • Annual report not published and/or distributed • Failure to develop a system to track and/or log all required categories of crimes for all campus locations • No Drug Alcohol & Abuse Program Plan in operationas of the date the PPA is signed Regulations: 34 C.F.R. § § 668.41; 668.46(c); & 668.49

  42. Crime Awareness Requirements Not Met Example: Failure to include all reportable offenses in crime statistics report Solution: Examine the report, establish policies, procedures, and internal controls to ensure that all required incidents are included in the report; implement process to submit report timely; publicize the availability of the report to students and faculty

  43. Additional Compliance Solutions • Post a link for security reports to school’s webpage • Review The Handbook for Campus Safety and Security Reporting • http://www2.ed.gov/admins/lead/safety/campus.html • FSA Handbook: Volume 2, Chapters 6 & 8 • FSA Assessments: Schools - Consumer Information Module - Activity 5: Clery/Campus Security Act

  44. SAP PolicyNot Adequately Developed/Monitored • Disbursement of aid to students not meeting the SAP standards • Failure to consistently or adequately apply SAP policy • Failure to develop a SAP policy that includes the minimum Title IV requirements Qualitative, quantitative, completion rate, maximum timeframe, remedial/repeat coursework, warning, probation, appeals • Not monitoring or documenting SAP • Regulations: 34 C.F.R. §§ 668.16(e); 668.32(f) & 668.34

  45. SAP PolicyNot Adequately Developed/Monitored Example: Failure to disclose the quantitative measure required to maintain Title IV eligibility Solution: Revise SAP policies and procedures to include all components for maintaining eligibility; publicize revised SAP policy

  46. Additional Compliance Solutions • FSA Assessments: Students - Satisfactory Academic Progress (SAP) Module • FSA Handbook, Volume 1, Chapter 1 • Staff training on new regulatory requirements for SAP • Published October 29, 2010 • Effective July 1, 2011

  47. Account RecordsInadequate/Not Reconciled • Failure to use an accounting system that adequately tracks all transactions involving Title IV aid and institutional charges • Failure to balance school’s program accounts with G5 and COD • Reporting incorrect Pell and Direct Loan disbursementsamounts/dates to COD • Failure to identify Federal funds in institutional bank accounts Regulations: 34 C.F.R. §§ 668.24 and 668.161-668.167

  48. Account RecordsInadequate/Not Reconciled Example: Student ledger reflected a Federal Pell Grant in the amount of $2155, while NSLDS and COD showed no disbursements being made Solution: Develop procedures and perform monthly reconciliation of all program accounts with COD and G5

  49. Additional Compliance Solutions • Perform routine reconciliation of all program accounts with COD and G5 • Establish internal reporting procedure • FSA Assessments: Schools • Fiscal Management • FSA COACH • School Responsibilities: Fiscal and Records Management • The Blue Book- newly updated 2013 • Direct Loan School Guide

  50. Inaccurate Recordkeeping • Inadequate or mismatched attendance records for schools that are required to take attendance • Failure to maintain consistent disbursement records • Conflicting information between hours on students enrollment agreement and actual required attendance hours • Federal Work Study timesheets discrepancies Regulations: 34 C.F.R. §§ 668.24(a),(d) and 668.161-668.167

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